(1) THE EXECUTORS OF MRS LESLIE VIVIENNE ELBORNE DECEASED (2) THE TRUSTEE OF THE ELBORNE LIFE SETTLEMENT (3) THE TRUSTEES OF THE ELBORNE FAMILY SETTLEMENT v THE COMMISSIONERS FOR HIS MAJESTY鈥橲 REVENUE AND CUSTOMS [2025] UKUT 00059 (TCC)
Upper Tribunal Tax and Chancery decision of Judges Jeanette Zaman and Vimal Tilakapala 17th February 2025
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INHERITANCE TAX 鈥� sale of home by deceased to trustees of a trust in which she held an interest in possession, consideration for which was a promissory note 鈥� trustees resolved to allow deceased to continue to reside in home 鈥� gift of note by deceased to a second trust under which she was precluded from benefitting 鈥� deceased died more than seven years after this gift 鈥� FTT dismissed appeal holding that in valuing the estate the liability under the note should be abated to nil under s103 FA 1986 鈥� Appellants appealed against that conclusion and HMRC cross-appealed on five issues 鈥� held 鈥� Note issued by the trustees was not a debt incurred by the deceased 鈥� appeal allowed, cross-appeal dismissed 鈥� decision of the FTT set aside 鈥� decision re-made 鈥� appeal allowed
(1) THE EXECUTORS OF MRS LESLIE VIVIENNE ELBORNE DECEASED (2) THE TRUSTEE OF THE ELBORNE LIFE SETTLEMENT (3) THE TRUSTEES OF THE ELBORNE FAMILY SETTLEMENT v THE COMMISSIONERS FOR HIS MAJESTY鈥橲 REVENUE AND CUSTOMS [2025] UKUT 00059 (TCC)